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Science, Service, Stewardship Frost Protection and Salmonids A threat assessment review and recommendations for future action Introduction ¾ Threat Assessment ¾ Case study on hydrologic impacts ¾ Proposal review ¾ Response to comments ¾ Recommendations Case Study: Maacama Creek ¾ Review of: Hydrologic Impacts of Small-Scale Instream Diversions for Frost and Heat Protection in the California Wine Country By: M. Deitch, G.M. Kondolf, and A.M. Merenlender Published in: River Research and Applications 25(2): 118-134 (2009) Methods ¾ Monitored streamflow at several sites in Maacama Creek, a large tributary to the Russian River ¾ Including frost seasons 2004 and 2005 ¾ Correlated streamflow with: z z Presence of vineyards Frost events Results ¾ Acute streamflow reductions z z z ¾ ¾ ¾ Up to 97% surface flow reduction Lasting from hours to days Up to 3.7 million gallons (11.4af) extracted per event Only occurred when air temperatures approached freezing Occurred in all sites where vineyards present Did not occur in areas without vineyards Research Conclusions ¾ “Natural catchment processes are insufficient to explain the irregular changes in streamflow in Franz and Maacama Creeks” ¾ “Small instream diversions…deplete streamflow over short durations” Scope of Effect ¾ Geographic z z extent Effects observed throughout watershed Lowermost site drains 112km2 ¾ Frequency: z z 6 events in 2004 7 events in 2005 Cumulative Effects ¾ Streamflow in lower Maacama is normally twice the flow in upper Maacama z ¾ Indicating that Redwood Creek contributes significant flows to the lower site During frost events lower Maacama flow is approximately equal to the upper site z z No vineyards above the upper site Effective contribution of Redwood Creek (with 16% vineyards) is zero flow Water Demands ¾ Surface diversions potentially in excess of spring and summer flows in many parts of the Russian River (Merenlender et al. 2008) ¾ Existing diversions may reduce streamflow by 20% in 1/3 of Russian River streams (Deitch et al. 2008) ¾ High demand creates high potential for hydrologic impacts Conclusions I ¾ Scientifically credible evidence of hydrologic impacts from frost withdrawals in one major Russian River tributary z Includes large-scale cumulative hydrologic effects ¾ Impacts consistently associated with vineyard development Dooley Mainstem - Hopland to Lake Mendocino Franz / Maacama Ukiah Hopland Dry Hopland Cloverdale Healdsburg Jenner Santa Rosa Green Valley Mark West Biological Response ¾ Widespread exposure of species to effects z z ¾ Stranding z z ¾ Large portion of habitat co-occurs with vineyards e.g. the entire Maacama drainage network is Critical Habitat for Threatened steelhead Ramping rates Complete habitat desiccation Secondary effects: z z Predation Reduced feeding/growth Threat Assessment Summary ¾ Salmonids are killed by frost water diversions ¾ Salmonids are at risk in all major tributaries with frost protection activities ¾ The burden should be on water users to demonstrate their absence of impacts Proposal Evaluations ¾ Progress to date ¾ Areas for improvement ¾ Overall effectiveness Progress to date ¾ URSA Proposal z z ¾ Sonoma Resource Protection Group z ¾ Compensatory release program Off-channel pond construction Water use assessment Russian River Property Owner’s Assoc. z z z Water use assessment Streamflow monitoring Transparency Areas for Improvement ¾ Tangible z z actions Not commensurate with the scope and magnitude of problem particularly in tributaries ¾ Participation ¾ Land use planning ¾ Monitoring ¾ Transparency Overall Effectiveness ¾ Addressing impacts of this scale is a huge challenge. ¾ Each proposal contains some elements of a solution, but none cover everything ¾ We therefore conclude the proposals presented to us are not sufficient to ameliorate the threat that frost protection poses to salmonids in the Russian River. Misconceptions I ¾ Regulation z z Alternative methods do exist Business and conservation of natural resources can co-exist ¾ Sharing z z will ruin the local economy data will hurt growers Most take cases are prosecuted without data from the defendant Data can exonerate you Misconceptions II ¾ Threat is limited in frequency and scope z ¾ Strandings would happen anyway z ¾ This view is not supported by the evidence Stream desiccation and strandings do occur, but diversions make it worse Poor ocean conditions and drought obviate the need to protect freshwater habitat z Restoration of freshwater habitat will provide greater resilience to populations Overlap between Vineyards and habitat There are 60,640 acres of vineyard in the Russian River (Heaton 2008). 70% are within 300 feet of salmonid habitat and 25% of salmonid habitat is within 300 feet of a vineyard. Vineyard Source: UC Berkeley/IHRMP North Coast BIS Lab 2008 Misconceptions III ¾ Self z governance is the best solution No effective action was taken when the problem was first identified in 1997 ¾ Existing z z regulation is sufficient Regulations have not prevented impacts so far ESA is a backstop to prevent extinction, not a water management tool NMFS Authorities ¾ NMFS is the agency responsible for implementing the Federal Endangered Species Act as it applies to salmon and steelhead. z Also the Magnuson-Stevens Fishery Conservation and Management Act ¾ We achieve this via technical assistance, permitting, and enforcement. Chronology I ¾ ¾ ¾ ¾ 1976: Direct diversion for frost protection is ruled to be an unreasonable use of water in the Napa Valley 1997: SWRCB Staff Report identifies frost management impacts to salmonids in the Russian River 2006: Researchers document hydrologic impacts in the Russian River 1999-2008: 30% – 40% increase in vineyard acreage Chronology II ¾ 2008: Severe frost event with documented fish kills ¾ 2008: Frost Protection Task Force formed ¾ 2009: Additional fish kills associated with frost management ¾ 2009: Proposals submitted and SWRCB considers regulation Recommendations I ¾ Salmonids in the Russian River watershed need immediate protection from high-rate water withdrawals ¾ Regulatory backdrop is needed to fully address the threat ¾ Develop a water allocation framework Recommendations II ¾ Insist z z on water use accountability Via comprehensive monitoring and reporting And water budgeting ¾ Establish instream flow criteria ¾ Create mechanisms to enforce ¾ Build on FPTF proposals Conclusion ¾ NMFS HCD will continue to provide technical support to: z z z ¾ SWRCB and the FPTF OLE Any stakeholders or interested parties NOAA’s Office of Law Enforcement will continue with its enforcement duties